Pronghorn antelope at Gardner entrance to Yellowstone National Park, MT.20160713 by Clint Nagel.

GWA's Comments on the Limestone West Timber Sale

GALLATINWILDLIFE

ASSOCIATION

P. O. Box 5317

Bozeman, MT 59717

(406) 586-1729

www.gallatinwildlifeassociation.com

October 28, 2018

Chuck Barone, Project Leader

Montana Department Natural Resources and Conservation

2273 Boot Hill Court Ste. 110

Bozeman, MT 59715

Attn: Timber Sale

Dear Chuck Barone:

The Montana Department of Natural Resources and
Conservation (DNRC) has recently released their Limestone West Timber Sale Draft Environmental Impact Statement (DEIS). The Montana Department of Natural Resources and Conservation (DNRC), Bozeman
Unit began working on developing this proposed Limestone West Timber Sale Project in March 2016. The agency has already held a series of public participation events, considering public comments, and
conducted extensive field work and analysis. As a result, DNRC has developed three Action Alternatives and a No Action Alternative all of which are designed to meet the proposed project objectives
and address issues and concerns raised by the public. Most of comments below will pertain to Alternative A and B as these alternatives will have the greatest and immediate impact upon the
landscape.

The Gallatin Wildlife Association (GWA) is submitting
comments to address this DEIS. GWA is a non-profit volunteer wildlife conservation organization representing hunters, anglers and other wildlife advocates in Southwest Montana and elsewhere. Our
mission is to protect habitat and conserve fish and wildlife. GWA supports sustainable management of fish and wildlife populations through fair chase public hunting and fishing opportunities
that will ensure these traditions are passed on for future generations to enjoy. We support the Montana constitution which states: “the opportunity to harvest wild game is a heritage that shall
forever be preserved” and that “the legislature shall provide adequate remedies to prevent unreasonable depletion of natural resources.”

The Enabling Act of
1889:

GWA is commenting with the understanding and knowledge
that the goal of the Montana DNRC Forested State Trust Lands Habitat Conservation Plan is to produce the largest measure of reasonable and legitimate return over the long run on lands held by the
State of Montana for the purpose of supporting public education as detailed in the Enabling Act of February 22, 1889. These institutions are also declared the beneficiary as pertained in the
1972 Montana Constitution, Article X, Section 11; Montana Code Annotated [MCA] 77-1-202. The Board of Land Commissioners (Land Board) and DNRC are required by law to administer these trust
lands.

According to what is
stated on page one of the DEIS, “Management of the lands in the project area is guided by
DNRC’s State Forest Land Management Plan (SFLMP), Forest
Management Rules (Administrative Rules of Montana [ARM] 36.11.401 through 470), and the Montana DNRC Forested State Trust Lands Habitat Conservation Plan (HCP). The SFLMP has the following
philosophy:”

“Our
premise is that the best way to produce long-term income for the trust is to manage intensively for healthy and biologically diverse forests. Our understanding is that a diverse forest is a stable
forest that will produce the most reliable and highest long-term revenue stream. Healthy and biologically diverse forests would provide for sustained income from both timber and a variety of other
uses. They would also help maintain stable trust income in the face of uncertainty regarding future resource values. In the foreseeable future, timber management will continue to be our primary tool
for achieving biodiversity objectives.

Before we move into
the merits of the DEIS or lack thereof, GWA would like to question the full applicability of a law which is 130 years old; a law which was formulated in the 19thcentury being applied today in the 21stcentury. It is obvious that the Enabling Act of 1889 is still active and has not been
superseded, but the state legislature and Congress really do need to review the necessity and continuance of its existence. According to what we know, this legislation was originally designed to help
Montana and the State of Washington to become states, a law which allowed the Dakota Territory to split into both North and South Dakota. The states were obligated to pay off debts while the federal
government would provide education to its citizens. These forested public lands were set aside in a trust fund to aid in that funding and reimbursement of public-schools. This need to pay for
education by setting aside state lands is no longer relevant and necessary today. The state of Montana has a large enough tax base in the 21st century to cover those costs without setting aside
public lands to generate revenue. These lands have more value today by serving the public in other ways rather than fulfilling an obligation designed 130 years ago.

On page 11 of the DEIS,
there is this statement.

“The Land Board and DNRC are required by law to administer these lands to produce the largest measure of reasonable and legitimate return over the long run
for this beneficiary institution (MCA 77-1-202).”

We understand the
requirement, but we dispute the need to maintain an antiquated policy.

Cost-Benefit Ratio:

In learning of the
project, one of the first concerns of GWA was: to what end? We understand the willingness and mandate under the Enabling Act and the Constitution, but what were going to be the ramifications to the
resources on the ground? How was this going to affect the forest ecology and the wildlife? Whenever man exploits a resource, there is a cost to be paid. In searching through the DEIS, nowhere could
we find any analysis on the cost-benefit ratio. There was a sub-chapter entitled Economic Analysis on page 229 where an economic analysis was conducted, but nowhere did we find a value placed on
wildlife lost, or habitat lost, or the environmental degradation which would likely occur. Which is why we ask; what is the value of our natural heritage? Many would say priceless. How do you (we)
establish a dollar value on such intangibles? In spite of the difficulty, they do need to be valued, not ignored.

The
Benefit:

Eight out of the 279 pages (the main body of the DEIS)
were devoted to analyzing the economic benefits of this project. It has been stated on page 234 of the DEIS that the revenue gained from Alternative A and Alternative B were estimated to be $189,600
and $130,478 respectively. We should say revenues gained is the net profit to the trust fund, the whole reason for this project. We recognize there would be more economic benefits than just those to
the trust fund. The DEIS makes this statement on page 235.

“Direct
labor income from harvesting and processing of timber in the proposed action is estimated at $1,070,251 or $670,197, for Action Alternative A and B, respectively. Estimated direct and indirect
employment effects include the contribution to 24 or 15 full-time jobs for one year for Action Alternative A and B, respectively.”

But these economic benefits are temporary. In
addition to that end, DNRC touts the economic benefits in the private sector from the logging scenario but should that even be considered if the sole goal is to generate income for the state? Outside
of trust revenues, there is also expected to be an increase in state revenues. Those are estimated to be $462,438 or $318,240 for Alternative A and B respectively. It is obvious that these are
minimal increases in state funding compared to the many actions which are available to state agencies and legislatures in order to increase state revenues. Greater savings could be accomplished by
legislative action if politics wouldn’t get in the way. The same could be said for local job creation or for generation of local income. Decades of wildlife disruption, habitat loss and environmental
degradation far outweighs a couple years of increased minimal job growth or income generation. We can also state without equivocation; wildlife habitat destruction and wildlife displacement would far
exceed the minimal net revenue gained to the trust fund.

But this DEIS takes the economic benefits of this
project a step further. It tries to justify the proposed project by touting improvements to forest health and productivity. There is this statement on page 234.

“Forest
improvement (FI) revenues are a component of gross revenues earned from state forest timber sales and are used to finance projects that improve the health, productivity, and value of forested trust
lands.”

GWA challenges that
statement. Where is the science on which this premise is based? That discussion is below.

But before we move on to the cost of this
project and its impacts, GWA would like to raise an issue concerning DNRC’s ability or lack thereof to collect funds from those utilizing state lands. Since we are talking about benefits to the
state, DNRC has the ability to raise revenues for the same if it saw fit. There is an access point in the project area that leads to the east side of Mt. Ellis. It is our understanding that all
non-hunting recreational users of state land are supposed to have a state lands permit costing $10. Is this being enforced? This is a potential source of income for DNRC and for the trust fund if the
funds were so directed. It is our understanding that Montana Fish Wildlife and Parks (MFWP) is the primary enforcement agency for permit compliance but they rarely target this problem. Is this the
case? DNRC should be enforcing this permit system on the public who use DNRC’s lands. How many dollars across the state have been lost due to the ineffectiveness of state agencies to collect funds
from the utilizing public? DNRC should have provided an estimated amount of those lost dollars in this discussion.

But this does bring up an interesting point.
There are other ways to raise funds from state lands other than from exploitation or extraction. We suggest that DNRC look into these other sources of raising income.

The
Cost:

Our Forests:The DEIS seems so determined to justify the commercial benefit to be gained, that it minimalizes the environmental
cost. An example of this can be seen concerning the lack of discussion on forest health resulting from clearcutting. Appendix A on page 314 states that clearcutting was eliminated from further
discussion because of what they determine to be limited use. We do not agree with this rationale that adverse impacts from clearcutting should be minimized just because of acreage size. Who
determines what is limited use? Under Alternative A, nearly 14% of project area would be clear cut. The DEIS does not provide adequate discussion of the adverse impacts from clearcutting.
Clearcutting affects the microclimate within a forest, drying out soil and organisms, changing the biome. This is the determining factor in what kind of ecosystem we have. Not to do a full analysis
of this treatment is unprofessional and biases the DEIS.

The DEIS states on pages 79 and 80 that regeneration as
proposed in Alternative A and B of Douglas-fir stands may be hampered by the growth of shade-tolerant species. In order to circumvent this action, it is stated that both alternatives may include
additional planting of Douglas-fir and even brush control in order to obtain sufficient levels of Douglas-fir stocking levels. This tells GWA that these areas are not suitable to provide
sustainability. What this would mean are additional intrusions upon the landscape to provide an otherwise unobtainable goal. All would mean more dollars spent, more footprints upon the landscape,
more opportunity to transplant noxious weeds and invasive grasses.

"Shade-tolerant regeneration may establish in some openings created with this prescription; however, experience in similar forests in this area has shown a
lengthy regeneration period that may exceed 30 years due to infrequent and poor seed crops as well as heavy competition from brush, particularly ninebark, and grass that establishes following
harvesting. Planting and brush control may be necessary and used in some areas to establish Douglas-fir regeneration at sufficient stocking levels in these
stands."

GWA believes that regeneration most likely will far
exceed the 30 years stated. This is highly optimistic especially in a warmer, drier biome with climate change and removal of canopy cover which is forecasted to occur.

But there are other rationale needing to be considered
when analyzing the best way to make forests healthy. There is science which needs to be explored; other arguments which need to be heard. I would like to refer the DNRC to the link
below.

We don’t see evidence within this DEIS stating the
science and the danger of removing fire-resistant older trees. What is the danger or likelihood of fuel-reduction treatments increasing the probability of invasive weeds and non-native fire prone
grasses? Where is the proof that fires avoid forests because of thinning? This last point brings us to the scientific reference listed below. We strongly urge the DNRC to read and address the issues
as stated inThe Open Forest Science Journal,
2008.

We would like to refer DNRC to quotes from both
references as they corroborate each other. This first quote is from TheOpen Forest Science Journalintroduction (pg. 1):

“…treatments cannot reduce fire severity and consequent impacts, if fire does not affect treated areas while fuels are reduced. Fuels rebound after
treatment, eventually negating treatment effects. Therefore, the necessary, but not sufficient, condition for fuel treatment effectiveness is that a fire affects a treated area while the fuels that
contribute to high-severity fire have been reduced.”

This additional quote from
StopThinningForests.org/fire-prevention.html may state it more succinctly.

“ …..40,000 fires were analyzed and the research showed that the likelihood of a fire going through the treated areas when the fuels were reduced was
between 2-4% during the time in which the treatments would be effective.”

“Fires do
not avoid forest lands because of thinning. Once a catastrophic fire is underway in our forests, there is little to nothing that can be done to divert that fire, yet these are the kinds of
fires the Forest Service refers to when trying to convince individuals and the public that thinning would be a preventative measure for fire.”

In this quote you can
either replace Forest Service with DNRC or just add DNRC to the existing statement and it would be relevant. As stated in quote 1, fuels rebound and if fire does not reach treated areas on the
landscape, then cost for prevention is not returned in benefit.

But one of the more important scientific questions
which the DEIS did not address was the loss of genetic variability due to the practice of forest thinning. What are the costs of losing this genetic makeup of trees; trees that are more likely to be
resistant to drought, fire or pestilence. Where is the science on this within the DEIS? GWA would like to refer DNRC to the following science journal;https://phys.org/news/2017-01-forest-thinning-sabotage-natural-climate.html.

“Recent studies have demonstrated that genetic variation is high within populations of forest trees, with especially high diversity found at the lower
latitudes and altitudes that form the edges of a species' distribution. Local genetic and epigenetic variation makes some individuals naturally more likely to survive drought, fire, and insect
outbreaks. This is because ecotones, or transitional areas, are where each species experiences the most extreme climate conditions that it can survive, the lowest elevation and latitude
boundary.”

What are we doing to our natural forests? Do we really
understand the method to our madness? What is the cost of our sacrificing the natural health of our forest for man’s interpretation of what that healthy forest should be?

Other Concerns:This leads us to the second quote from the introduction of The Open Forest Science
Journal.

Assessing fire occurrence and its effect on fuel
treatment effectiveness also has merit because treatments can incur ecological costs, including negative impacts on aquatic systems, soils, and invasion by non-native
plants.”“

Note the mention of ecological cost and negative
impacts on aquatic systems, etc. Even the DEIS verifies and acknowledges these impacts, but the report minimalizes them to the point of being of “no concern”. This is an example of what we meant when
we say the DEIS is biased.

Introduction of Noxious Weeds:

It is unmistakable; an increased footprint of man upon
the forest floor will lead to an intrusion of noxious weeds and non-native grasses. On page 95 of the DEIS there is this statement.

“Forest
management activities associated with this project and BMW project are likely to facilitate the spread of existing species or introduce new species to the project area and Southeast Bozeman Landscape
due to soil disturbance and reduction of canopy cover associated with timber harvesting. Harvesting operations in the project area would affect approximately 601 acres under Alternative A and
373 acres under Alternative B, and proposed forest management activities in the Southeast Bozeman Landscape could potentially affect an additional 4,173 acres. Recreational use and grazing
activity could also introduce new species or aid in the spread of existing noxious weeds in both the project area and Southeast Bozeman Landscape.” Pg. 95

Two actions will happen as a result of this proposed
project. There will be an opportunity of non-native grasses and noxious weeds to enter the landscape during and as a result of timber extraction, and they will have another opportunity to enter the
landscape as the land is opened up for grazing and recreation. GWA would like to refer the DNRC to a U.S. Forest Service EIS on Noxious and Invasive Weed Treatment Project on the Gallatin National
Forest of 2005. Even though this EIS is referencing lands on the Custer Gallatin National Forest, application to DNRC lands which border Forest Service lands can be made. On Chapter 1, under
“Ecological Impacts Of Invasive Plants”, page 1-4; it states.

“Invasive
plants can affect the structure of ecosystems by altering soil properties. Soil in areas dominated by invasive plants may have lower amounts of organic matter and available nitrogen than areas
supporting native grasslands (Olson, 1999).”

GWA would also like to refer DNRC to another document
by the U.S. Forest Service, the FINAL Supplemental Final Environmental Impact Statement Bozeman Municipal Watershed Project of 2011. On page 179, it states the issue of weeds this
way.

“Proposed
activities such as prescribed burning and removal or thinning of the forest canopy, activities that displace ground cover such as road construction, yarding of logs, and log landing construction and
their use may cause new noxious weed populations to become established and existing populations to expand.”

It is interesting the U.S. Forest Service includes the
phrase “may cause” as they describe the relationship between aggressive actions of forest harvesting and the establishment of noxious weed populations. But we firmly believe the issue is stated so
for a reason, and that reason is because they do. To those who believe that the spread of noxious weeds is not a serious issue, we urge those to read further on page 179.

“…..In
most cases, noxious weeds evolved in other countries where the pressures from the environment cause them to develop aggressive and invasive characteristics. Noxious weeds are spreading like
biological wildfire and are out of control in many areas of North America.

If all of this is true, which we believe it is, then we
ask the question. Why do government agencies insist in actions that magnify the problem, actions that aggravate the negative rather than solve the problem? Mitigation is not a solution, but it seems
to be the answer that is used to enable and justify proposed actions. If this is true, then the Forest Service and all other government agencies who practice resource management needs to rethink
their actions, budgets and proposed actions.

Geology and Soils, Road Building and
Sedimentation and Erosion:

These three topics laid out in the DEIS, road building,
sedimentation and erosion, and geology and soils are topics which are all inter-related. Water-quality issues resulting from land and soil disturbance should be included in this relationship as well.
Natural resources of soils, water and vegetation are all impacted by the ability of these resources to repair and heal themselves. And much of that depends upon the severity of the damage, slope
conditions, climate and the nutrients and the biota of the soil itself. These issues and concerns are not new to projects which have been proposed along the Gallatin Front south of Bozeman. The DEIS
makes the following declarations.

On New Road Building,

Implementing either Action Alternative A or B would result in approximately 2,830 feet of new road construction within 100 feet of a stream of which
approximately 1,200 feet would be reclaimed after the completion of timber harvest activities. All new road construction would be associated with 7 new stream crossing locations, all of which would
be in the Limestone Creek analysis area. This results in an average of approximately 400 feet of new road construction within 100 feet of a stream channel per crossing site.
Pg 116

“Up to 9.2
miles of new road would be constructed in accordance with the SFLMP to facilitate the timber harvest. At the completion of harvest 3.8 miles of the new road constructed would be abandoned, all
culverts removed, seeded to grass and closed with debris leaving the road prism in place. 5.3 miles of the new road would remain usable for administrative purposes and future harvest as Restricted
road.” Pg. 247

On Sedimentation and Erosion,

“The
increase in sediment delivery in Limestone Creek associated with this road construction and crossing structure installation (culverts and bridges) would result in 2.3 tons of sediment delivery per
year for approximately 2 to 3 years until vegetation is established and traffic is reduced to administrative use only.“ Pg
117

“At
project completion, the transportation system roads managed as Motorized Use Restricted year-round would continue to be used for administrative purposes including; weed management, grazing
management, firewood permits, and future forest management activities including timber permits and sales. The improved access through Sections 3 and 4 may provide for more opportunities to use
permits to facilitate small forest management projects in the future. Future permits or sales would require an environmental analysis to comply with MEPA.” Pg. 255

“The
moderate probability of low-level effects of upland erosion from timber harvesting coupled with the increased sediment delivery from new road construction and crossing structure installation results
in a high probability of moderate direct and indirect effects to sediment delivery in Limestone Creek resulting from the implementation of Action Alternative A or B.” Pg. 32

“Approximately 9.1 miles of road would be constructed and used to complete this alternative, of which 3.8 miles would be reclaimed following project
completion. No new open roads would be constructed under this alternative. However, 5.3 miles of the 9.1 miles constructed for the project would be gated and retained on the landscape. Only motorized
activities for administrative purposes would be allowed on these roads, which would pose minimal disturbance to local wildlife in the years following the logging disturbance. However, depending on
the degree that these new closed roads might be used in the future by the public for recreation, additional displacement for a longer term (several decades) until logged stands regenerate would be
possible.”Pg 134

And for Geology and Soils, there is
this.

“Applying this soil disturbance rate to the acres proposed for timber harvest and road construction shows that approximately 210.5 and 70.0 acres of land
will have varying ranges of detrimental soil disturbance for Action Alternatives A and B, respectively.”Pg.
104

“When this data is paired with
measurements collected on historic skid trails within the project area, it can confidently be forecasted that primary skid trails and other areas of severe soil impacts will remain for approximately
10-30 years.” Pg. 104

“Due to all the above listed
considerations, onsite field evaluations and information provided from the SINMAP model, a moderate probability of low to moderate impacts to soil productivity, and potentially water quality, from
small, localized slope failure is possible for both timber sale action alternatives A and B.”Pg.
105

These are documented givens within the DEIS. We are
especially concerned that effects from skid trails are forecasted to remain for at least 10-30 years. We are concerned because we believe the DEIS is minimalizing the degree and length of negative
impacts over time. Evidence of soil and land disturbance, visual and biological, will most likely remain on the landscape longer than expected. The DEIS references the SINMAP model forecasting
impacts to soil productivity as low to moderate. We know that models are only a tool to be used in analysis. They are only good as the data inputted into them.

After having said that, GWA would like to refer DNRC
to their own report, Bear Canyon Management Plan and Draft Environmental Impact Statement of 1980 (BCMP). This report was written as a result of increased demand for recreation, grazing and
forest products within the DNRC, Bear Canyon Planning unit. This is an area by the way, which incorporates much of the current Limestone West Project area. Even though the DEIS of the BCMP is nearly
40 years old, the geology remains the same.

“Tilting
and subsequent dissection of alternating sandstones and shales has resulted in mass failures on many steep, wet slopes. Many of these slumps and flows have become relatively stable but could be
activated by actions that cut slope toes or add water.”Page 7

The limitations on some land types are severe because of mass failure hazard, indicated usually by thepresence of steep slopes, clay soils derived from shales and mudstones, sedimentary beds dipping in the same direction as the slope, vegetation indicative of
abundant free water, or rough, broken topography indicative of a history of mass failure.Page 7

In connection with that report, on page 12 there are
these bullet points.

Interbedded sandstones
and shales/mudstones are prevalent in the Bear Canyon area.

Sandy soils and
sandstone transmit water to the impervious shale layer.

Water is concentrated along the sandstone-shale
interface.

High concentration of
groundwater induces slope failure on the lower one-third of the slope, especially where natural slope hydrology is disrupted.

Removal of vegetation
reduces transpirational surface, increasing the quantity of ground water and the opportunity for slope failure.

Road drainage features that concentrate water may also
induce slope failure.

How can these concerns, these geologic and hydrologic
likelihood of events be ignored? When you look at these geologic characteristics of the area and then look at the map on page 109 in Appendix II of the current DEIS, Map LW-2 Limestone West Project
Slope Stability Index pictures much of the area with moderate to quasi stable slopes at best. We feel the DEIS falsely depicts the reality on the ground; thereby minimizing the danger of slope
stability of the area. The organization Save Our Gallatin Front states that the Limestone West area is unsuitable for logging due to its steep slopes and unstable soils. We
concur.

Aestheticsand Climate Change:

There are many reasons to oppose the timber sale of
Limestone West. We’ve already listed some of them here. We anxiously want to get to the discussion of wildlife, our primary concern, but just a sentence or two on aesthetics and the unknowns of
climate change. As a wildlife advocacy organization, the negative impact on the aesthetics may not be our foremost concern, but as a citizen-based organization in the Bozeman community, we do care
how are community appears to those of us who live here and to those visiting from the outside world. And to that end on page 66 of the DEIS, it states the following.

“Following
harvest, the increase in the amount of managed acres visible from each observation points is expected to be very noticeable within the range of the cumulative effects analysis area especially from
Fort Ellis, South Third Street and Star Ridge Road observation points.”

This would be a blight on the landscape of Bozeman and
would be so for a considerable time despite some views to the contrary. This proves a point as to why people should have a stake and a say in how public lands are used. The use of public lands is not
just for those who have a vested interest in making profit. State and federal lands belong to all the people and the people should have a voice in their health, appearance and purpose. But the people
should also be educated in all facets of their history and their purpose. They should be educated in the ecological processes at work and accept those processes even though they may not see a benefit
at the time. It is up to organizations, state and federal entities to educate the public to the overriding benefit of our forests instead of feeding the politicization of
them.

Climate change is addressed in the DEIS, but not
perhaps to the detail necessary or required. Climate change is going to have an impact upon our natural resources and our heritage. The question is then, not if or when, but how severe? We know that
climate change will not only affect our weather, but it will affect our hydrology, our forests and flora. It will affect our wildlife and their migration patterns, species existence, agriculture and
our economics. There may be a lot we don’t know, but there is also a lot in what we do know. On page 126-127, there are these statements.

“Evidence
of widespread climate change has been well-documented and reported (Intergovernmental Panel on Climate Change 2013). In Montana, effects of climate change will be related to changes in temperature
and moisture availability, and the response of individual tree species, forests and habitats will be complex and variable depending local site and stand conditions. Changes in temperature and
moisture availability may affect the ability of some tree species to establish and regenerate on some sites. Forest productivity may increase in some areas due to longer growing seasons associated
with increased temperature where moisture is not limited, but may decrease in other areas where increasing temperature results in decreased water availability. Drought severity is expected to
increase, leading to increases in forest and tree mortality.”

What we should know is forests mitigate climate change.
They do so by taking in CO2 gases. According to the Climate Institute, “it is estimated that 25% of the world’s total greenhouse gas production comes from deforestation alone.” So
why are we cutting down more trees? Man is enabling the climate to get warmer and drier by applying varying degrees of deforestation. That in turn enhances climate change which allows forests to
become warmer and drier. That in turn, enhances pestilence to occur providing us an excuse to cut more trees. We are the problem and we are enabling a vicious cycle to occur.

Phil Whitmer along with the science team at
Sciencing.com wrote an article entitled Negative Effects of Clear-Cutting dated April 25, 2017. Under the paragraph entitled Forest Biome, they go on to state this scientific
fact.

“A forest
biome is a balanced and interwoven set of ecosystems. The community of trees, plants, animals, insects, fungi, and lichen all work together to increase one another’s chance of survival. This finely
tuned ecological niche is disrupted by clear-cutting. Removal of the forest canopy negatively affects the other ecological zones. The umbrella-like canopy regulates the amount of wind and sunlight
the forest floor receives. The disruption of the forest’s uppermost protective layer upsets the biome’s microclimate.”

Climate change only aggravates this scenario by making
it harder to restore balance back to a clear-cut or thinned area of a forest. The forests floor will become open allowing for a warmer, drier microclimate destroying the delicate balance was present.
And then there is this statement in the DEIS found on page 127, a disappointing statement to say the least, on climate change.

“Given the
many variables and difficulty in understanding the ramifications of changing climate, detailed assessment of possible direct, indirect, or cumulative effects of climate change in association with
project activities described in this DEIS is beyond the scope of this analysis. In the face of current uncertainty associated with climate change, DNRC is continuing to manage for biodiversity as
guided under the SFLMP.”

We see public land management agencies being the front
lines in applying the most recent science to the ecosystems charged to them. It is their responsibility to understand and to apply this science. Managing biodiversity under the SFLMP is the problem.
Time and time again we see various land management agencies succumb to political pressures and the whims of special interests’ groups knowing that the proposed actions would be harmful to the
resource, but we do them anyway. Why? In this case we propose them because of an antiquated law that will net the trust fund just under $190,000 (alternative A)? We should manage the biodiversity
with the science as we understand it, not to go blindly forth following bad policy just because it is policy. Agencies need to be more progressive in interpreting good policy on public lands and help
change the laws in order to utilize the science. Take the politics out of it. We know this may be too idealistic, but that is what needs to be accomplished.

We’ve said all of this to show the costs of this
project far outweigh the benefits. There is a cost to be had, but the DEIS does not emphasize the cost upon those values lost. In other words, the DEIS seems so hard to justify the commercial benefit
to be gained, that it minimalizes the environmental cost. And that environmental cost is no more prevalent than as it pertains to wildlife, our primary concern.

The Cost to Our Wildlife:

Nowhere within the DEIS is our concern greater than
what this project will inflict on wildlife. And we have these concerns for good reason. It will be the wildlife which will likely suffer the greatest loss along the Gallatin Front, perhaps even more
so than the loss to the forest integrity itself. GWA recognizes when man interferes or manipulates the forest biome, it will benefit some wildlife species and harm others. That is a given. But the
question becomes, does that benefit or harm upset the ecological balance? It is that point which is not discussed within the DEIS. The DEIS spent 106 pages analyzing the effect this project would
have on wildlife. But there is more to forest integrity than how we affect it. A greater question would be how does our actions (for example: this project) effect the relationship of species with
each other or to those intricate parts of the forest biome? Do we completely understand the intricacies we are dealing with?

We find it interesting that the greatest majority of
the DEIS is spent discussing the analysis of wildlife. Perhaps this is because the importance the Bozeman community places on wildlife; or perhaps it is because of the acknowledgement of the obvious.
Both are true. And with that, we begin.

Connectivity:

The DEIS correctly states our concern over the
integrity of wildlife corridors. GWA views this project as adding to the fragmentation of the Gallatin Bridger Big Belt Corridor, an action which would make this connectivity corridor less effective.
These “nickel and dime” projects, although small scale in nature, tend to have significant adverse impacts on overall connectivity. But because of their size, many of the harmful effects are down
played or ignored. Comments in the DEIS on page 127 acknowledge this impact.

“There is
concern that the removal of trees and the road system established for this project and cumulative effects associated with other projects in this roadless area would fragment and adversely affect
wildlife habitat and movement corridors for elk, mule deer (Odocoileus hemionus), white-tailed deer (O. virginianus), black bears (Ursus americanus), grizzly bears (Ursus arctos horribilis), moose
(Alces alces), birds and other species in one of the last pieces of habitat relatively undisturbed by people in this section of the Gallatin Valley. There is concern that specifically, habitat within
the Gallatin Bridger Big Belt Wildlife Corridor will suffer degradation and lowered effectiveness.”

The DEIS admits that this project area is home to elk,
mule deer, white-tailed deer, black bears and grizzly bears, moose and other species. These are fairly significant species proving that this is a critical habitat area for wildlife. Another passage
out of the DEIS is found on page 131. This paragraph fairly and accurately describes the current conditions along the Gallatin Bridger Big Belt Wildlife Corridor near Bozeman. But what the paragraph
seems to be saying is concerning. The DEIS seems to be implying that since these conditions are not ideal for a corridor, somewhat limited (is the term used), one more fragmentation will do no harm.
Since this disruption will be temporary, wildlife will adjust and return back to their old migratory routes and behavior. Is this proper science in use? Is this proper resource management? Please
rethink what you are saying as you read this again.

“The project area is situated along a forest/grassland ecotone
just south of the city of Bozeman, Montana. While habitat is present on the project area that would serve as an important linkage habitat in association with the Gallatin Bridger Big Belt Wildlife
Corridor, direct lines of travel to and from the identified corridor are impeded by subdivisions, human dwellings, agricultural land uses, open public road systems, and U.S. Interstate 90. Thus, the
ability for habitats in the project area to serve as a functional stepping stone or unique identifiable corridor to this larger, broader landscape feature are somewhat limited. Following timber
harvest, large species such as elk, deer, bears and moose would be expected to alter the way they use and move through individual forested stands in the project area, but would continue to use the
project area after motorized logging disturbance has ceased.”

Security-It is widely known that various species inhabit and utilize this specific wildlife corridor. GWA would like to refer DNRC to a letter which they should have
received in April of 2016 from Region 3 of the Montana Fish, Wildlife and Parks (MFWP). In that letter they state the following.

“Although
we agree with these objectives in general, applying these specifically in Limestone Canyon causes MFWP some concem for elk, moose, bear, pine marten, and other wildlife. Further, MFWP has significant
concerns about objective #5 of this project: "enhance and expand the existing transportation system to provide improved access for long-term future management of the area and fire suppression needs".
Road and trail construction and use can negatively influence wildlife in a variety of ways.”

Further on, they state.

“However,
security areas are also important. The relatively undisturbed Limestone Canyon provides this security cover in a larger matrix of lands open, due to fires and recent forestry. A large-scale timber
removal project to include open roads across these 5 sections could significantly and negatively impact elk security and habitat effectiveness. To introduce major disturbance areas would reduce this
security and result in elk displacement onto private agricultural lands resulting in greater game damage. Open roads, given the growing recreational demands of Bozeman, would further reduce the
effectiveness of this habitat for elk use through any season.”

One of several main functions of wildlife corridors is
providing security. Without that security, wildlife will feel threatened introducing fragmentation and inefficiency to wildlife habitat and to the connectivity corridor potential. We find it
interesting that hunters complain about the lack of hunting potential, saying that elk have been displaced. But here we have a project (as well as other past projects) which will displace elk and we
are supposed to accept this rationale because it provides a few dollars in the pockets of special interest.

Road Density –One of the greatest actions that this project will have on wildlife is that of roads, road construction, road positioning and road densities. The location of
roads is one of the greatest impediments to wildlife connectivity, and one of the more irreconcilable actions that can have detrimental effects to wildlife habitat. On page 155 of the DEIS, under the
heading of the Affected Environment, there is this statement.

"The
presence and human use of roads on the landscape can have a number of different effects on wildlife. The type and severity of effect can depend on a several variables, such as the species of concern,
the season, level of road use, type of road use, habitat availability and quality on the surrounding landscape (Canfield et al. 1999). Increasing human access into high quality habitat with
relatively high animal densities can result in greater potential for human wildlife conflicts (eg. bear attacks, unnatural food conflicts, conflicts with pets etc.) For this analysis we considered
the potential effects of forest roads receiving non-motorized uses throughout the year on mobile terrestrial wildlife species that can be moderately to highly sensitive to human disturbance
associated with roads (eg. elk, grizzly bear, black bear, and moose)."

Even the DEIS seems to recognize the impact that roads
can have on wildlife. But the troubling facet of this is the extent that the DEIS seems to go to downplay the effects of this proposed action, whether it be Alternative A or B. One more reference to
the above letter from MFWP of 2016, further on in that same letter, it states the following.

“Road construction and subsequent management of roads during and after the logging process is extremely important for elk and other wildlife (Lyon et al.
1985). Vehicle use on open forested roads can reduce habitat suitability for elk throughout the year resulting in elk avoidance of the site. Winter recreation on such roads, including motorized and
non-motorized travel, can result in displacement and energetic costs detrimental to wintering ungulates (Canfield et al. 1999). Displacement could push elk down onto neighboring agricultural lands,
exacerbating game damage conflict which is already severe. Various USFS publications offer different suggested road densities, but even 0.7-1.8 mile of roads per square mile could be insufficient to
protect elk habitat use (Henderson et al. 1993).”

This reference to road densities,
verifies what is already known that roads and wildlife don’t mix. GWA would like to refer DNRC to a U.S. Forest Service Report, Forest Roads: A Synthesis of Scientific Information, a General
Technical Report, PNW-GTR-509 of May 2001. On page 22 under Habitat Fragmentation, it states this.

"Habitat
loss has broader effects than just the conversion of a small area of land to road surface. Roads fragment by changing landscape structure and by directly and indirectly affecting species.Habitat effects of roads on the landscape include dissecting vegetation patches, increasing the edge-affected area and decreasing interior
area, and increasing the uniformity of patch characteristics, such as shape and size (Reed and others 1996). Whenever forest roads are built, changes in habitat and modified animal behavior will lead
to changes in wildlife populations (Lyon 1983). Road-avoidance behavior is characteristic of large mammals such as elk ( Cervus canadensis ), bighorn sheep ( Ovis canadensis ), grizzly ( Ursus arctos
horribilis ), caribou ( Rangifer tarandus ), and wolf ( Canis lupus )."

“A few
studies have related genetic changes in populations simply to the presence of roads (Forman and others 1997), but the distribution of roads in the environment also must be considered. Road density is
a useful index of the effect of roads on wildlife populations (Forman and others 1997). Wolves in Wisconsin are limited to places with pack-area mean road densities of 0.7 mile/square mile or less
(Mladenoff and others 1995). Some studies have shown that a few large areas of low road density, even in a landscape of high average road density, may be the best indicator of suitable habitat for
large vertebrates (Rudis 1995)”

Habitat fragmentation is a major culprit in lack of
security for wildlife. Road densities are part of that fragmentation. Obviously the greater the density, the more fragmentation and the more inefficient the habitat becomes. The more inefficient the
connectivity corridor becomes. The subject of road densities is explained in the DEIS, but in confusing fashion. We understand that this is a moving number depending upon what location is being
referred to and to what timeframe of the project is being discussed. We’ve seen numbers based upon different scenarios ranging from only a .1 increase in change as a result of project operation to a
density of 4.2 miles of roads/sq mile (table T-4, page 249). Let us refer you again to the MFWP letter stated above.

“Various
USFS publications offer different suggested road densities, but even 0.7-1.8 mile of roads per square mile could be insufficient to protect elk habitat use (Henderson et al.
1993).”

But in either regard, the road density is going to have
impact, potentially a significant impact depending upon the knowledge that state and federal agencies know. We do know a lot; the problem is that we choose not to utilize the knowledge that we do
have. We go through with projects knowing that they are risky and that they aggravate already existing problems.

Effects of Winter Recreation on
Wildlife:

GWA would like to go back and refer to the April 2016
letter from Region 3 of MFWP. In that letter, there was this quote in reference to road densities.

“Winter
recreation on such roads, including motorized and non-motorized travel, can result in displacement and energetic costs detrimental to wintering ungulates (Canfield et al. 1999). Displacement could
push elk down onto neighboring agricultural lands, exacerbating game damage conflict which is already severe.”

This leads into a discussion concerning an issue which
was sparsely covered in the DEIS, the effects of winter recreation on wildlife. Those two words “winter recreation” were mentioned 5 times, but 4 of those 5 in the DEIS were repetitional with no new
additional thought. And it was only done in a way that raises more questions than answers. On page 216 underDirect and Indirect
Effects of Action Alternative A,there is this statement listed as line item 6.

“new roads
would likely receive winter recreational use causing displacement of wintering elk and deer in the long-term”

The DEIS
provides next to little information about the increase in winter recreational use by the public although it states that is expected to rise. This is a use by the public that could cause additional
stress on elk and other wintering ungulates. MFWP addresses this concern, but it seems it was not a concern that DNRC took seriously. It should have been discussed in greater detail in the DEIS.
Would it have been possible for DNRC to provide solid data about the number of users?

Before we move
on, GWA would like the DNRC to review the work done by Greater Yellowstone Winter Wildlife Working Group, a coordinated effort between the U.S. Forest Service and the National Park Service. In their
report dated October of 1999, they published a paper entitled “Effects of Winter Recreation on Wildlife of the Greater Yellowstone Area: A Literature Review and Assessment”. There is too much
information to go into detail here, but we would recommend that DNRC read, listen and adhere to the many recommendations made by this team of wildlife experts. This document could be used as a
management tool, where applicable, on DNRC lands baring any new research stating the best available science. For an example, we will show excerpts here as they pertain to the recommended management
guidelines for elk, as found on page 26 in the document.

“Avoid construction of new facilities in elk winter range and place any necessary construction in or adjacent to already
disturbed areas. Elk winter range in many parts of the GYA is being converted to developments and other uses, so additional removal of winter habitat should be avoided.

Structure areas of human use and development so that there are buffer zones between humans and elk-use areas. Create or
maintain sight barriers (brushy or forested areas) adjacent to human-use areas, thereby reducing the distance elk must flee to find hiding cover.

Carefully research elk use of particular areas before creating new human activity zones. Avoid creating new developments or
disturbances in areas where elk have no alternative winter range to use or where impacts cannot be adequately mitigated.”

These are just three of the recommendations on
how to best manage elk during winter. The reason? All of that and more can be found in the document. An excerpt found on page 23 of the document states part of that reason.

“However, it did appear that elk moved away from ski trails, particularly those that were heavily used, during the ski
season. Anecdotal observations indicate that elk may be relatively sensitive to the sight and sound of snowmobiles, moving away when only a few machines are present (Bureau of Land Management,
unpublished data in Bury 1978). Anderson and Scherzinger (1975) reported that when recreational snowmobile activity increased in the Bridge Creek Game Management Area in northeastern Oregon, winter
elk counts decreased by 50 percent.”

Biodiversity:

Let’s ask the question first. Can habitat fragmentation
and biodiversity exist on the same landscape? The next question would be, if so, would it be a natural occurrence or one that has been manipulated or altered by man? And if that be the case, would
that be a true biodiverse landscape? Perhaps that is the real question. That question is not answered in this DEIS. Biodiversity is mentioned 27 times in the DEIS, but only in terms of it being a
goal within the project objectives. But the DEIS never does state what that objective would look like. What does biodiversity look like here? How will that be achieved and when? You can’t achieve
biodiversity when you are changing wildlife behavior; or when you are pushing certain species out of an area only to favor others. That is what is happening here in the Limestone West Project Area.
The next several quotes are from the DEIS, quotes which prove that point.

On page 130 and 134 respectively, there are these
statements.

“Dense
forest cover in areas logged using the clear cut with reserve treatment would be more fragmented and additional forest edge habitat would be created, which could benefit some species such as
white-tailed deer, but be detrimental to species such as marten that use dense continuous cover.”

“Species
that prefer non-forested conditions would benefit from openings in cover on 371 acres where lodgepole pine stands would be removed. Some species such as American marten (Martes americana) that are
known to occur in the area (Gehman 2017), may be displaced from local areas intensively logged for several decades, due to cover reductions.”

On page 156 and 157 respectively, there are these
statements.

"Displacement of some species could occur for several decades depending on how much recreational use the area receives (user days), and the types of
recreation. Both of these are somewhat uncertain into the future."

GWA does not believe this is what biodiversity looks
like. This shows the effects of habitat fragmentation not biodiversity. The proposed alternatives of A and B are the opposite effect of a biodiverse landscape. Just because we state that a biodiverse
landscape is a goal, doesn’t mean the actions will achieve objective. If we use the most prominent scientific definition, it is the following.

“Biodiversityis the variability among living organisms from all sources, including
terrestrial, marine, and other aquaticecosystemsand the ecological complexes of which they are part; this
includes diversity within species, between species, and of ecosystems.”

How do the expected results meet the definition of
biodiversity? Biodiversity is perhaps the most overused word in today’s lexicon concerning resource management. It is a word bandied about to show concern for environmental integrity, but in many
cases as in the Limestone West Project, actions speak louder than words. Along this regard, there is this statement on page 131.

"Following
timber harvest, large species such as elk, deer, bears and moose would be expected to alter the way they use and move through individual forested stands in the project area, but would continue to use
the project area after motorized logging disturbance has ceased."

GWA challenges the acceptance of this assumption. It is
true that some species such as deer may find advantages in this broken landscape, but for all species we strongly feel this would not be the case. On page 174 under the heading of Direct and Indirect
Effects of Action Alternative A, there is this statement which counters the previous assumption for bears.

"Opening
sizes would be restricted for these intensively harvested stands, such that hiding cover would remain nearby (within 600 feet) from any point within each unit. On the 371 acres proposed for
clearcut treatment, bears could wander into such areas and they would be more detectable by humans, which would result in their displacement and minor added risk of human-bear conflicts, particularly
in fall during the big game general hunting season."

Endangered and Threatened
Species:

Since the writing of these comments, the grizzly bear
was replaced back on the Endangered Species List as of late September, 2018. We find this good news for the future of the bear and hopefully for other species where special interests try to delist
parts of an overall population. But having said that, it is obvious now that this project very well could have effects on the overall populations of grizzly bears, especially those bears who may tend
to travel or roam within the Gallatin Bridger Big Belt Wildlife Corridor and/or those bears along the southern face of the Gallatin Range. We would once again like to refer to the letter from MFWP
dated April 2016.

“Black
bears frequent the Bear Canyon area, and grizzly bears have been known to move through the area.”

“The
Limestone Creek area has a substantial marten population, in addition to other forest carnivores such as bobcats that have been documented and harvested in the area from Limestone Creek to the west
along the forest/foothill face. Wolverines, which are a Species of Concern (SOC), have also been documented using the area and there is potential for lynx and fisher (both SOC's). All of these
species could potentially be affected by large scale logging and increase in the network of open roads. Mountain lions also use the area and we have documented wolf use and harvest from Limestone
Creek to Sourdough Creek. In addition, the current habitat provides cover for an abundant prey base for these forest carnivores, including snow shoe hares, jack rabbits, red squirrels, and small
mammals.”

We are repeating this to prove the
point that this area is rich in wildlife and it is rich in species of concern (SOC), endangered and threatened species, all of which is important to show how biodiverse this section of the forest
already is. Several species mentioned here in the MFWP’s letter are either listed or should be listed under the Endangered Species Act (ESA). The richness of the area’s wildlife is verified by Steve
Gehman of Wild Things Unlimited from his update of Wildlife Surveys in the Limestone West Area of March 7, 2017. On that list of surveys, he reported the following tracks, visual sightings and
wildlife captured on film via wildlife cameras.

Canadian Lynx –The DEIS accurately states our many concerns over habitat removal and fragmentation of habitat of the Canadian Lynx. On page 164, it states the
following.

“There is
concern that the proposed removal of trees and construction of roads may adversely affect federally-listed threatened and/or endangered wildlife species. The effects of the proposed alternatives are
addressed for Canada lynx, grizzly bears and wolverines below.”Continuing on –

“Under Action Alternative A, approximately 371 acres (21.3%) of the 1,738 acres of existing suitable lynx habitat would be removed within the 2,725-acre
project area and converted to temporary non-habitat (Table W-3). The 371 treated acres would be non-forested following harvest and would likely take 20 to 30 years to regenerate into a suitable
habitat condition comprised of new lodgepole pine and Douglas-fir sapling stands. Prior to the regeneration of new stands on treated sites, minimal use of these acres by lynx would be expected
(Squires et al. 2010). Approximately 230 acres of Douglas-fir and mixed conifer stands would be partially harvested and would be expected to continue providing suitable habitat. Following
proposed logging treatments, approximately 1,367 acres (50.2% of project area) of suitable habitat would remain in the 2,725-acre project area.”

The DEIS goes on to state slightly less disturbance
facts in Alternative B. But the DEIS admits that they are removing slightly over 20% of lynx habitat from the project area if Alternative A is chosen. Is this a price too high to pay? We have to
remember that we are talking about our natural heritage. Can we safely assume that the lynx or any other species will come back over time when we as a society are constantly making further and
further inroads into their habitat? Over time that line is pushed further and further back to where what is now habitat to that being permanently lost.

Wolverine -The DEIS is correct when it said the wolverine is proposed for federal listing under the Endangered Species Act. Without analyzing each species listed or
those proposed to be listed under the ESA, GWA would like to discuss the wolverine. The DEIS reported results from Steve Gehman’s Wild Things Unlimited of observed wolverine tracks in the project
area from 2017 and those found in the Hyalite Reservoir area from 2010. The DEIS also refers to a 33,422-acre cumulative effects analysis area. The purpose of utilizing this unit was to find zones of
persistent snowpack above 7,200 ft in elevation, the elevation where it is believed the snowpack can provide potential denning habitat for female wolverines. The DEIS states on page 182 the
following.

“However, approximately 407 acres of habitat in the project area occur at elevations greater than 7,200 feet that maintain persistent snow in late spring,
which may be suitable for denning female wolverines. Approximately 471 additional acres of similar potential habitat occur on DNRC lands in the cumulative effects analysis area outside of the project
area. These combined acreages total 878 acres of habitat on DNRC lands in the 33,422-acre cumulate effects analysis area.”

Further on in the
paragraph, the DEIS states this.

"Across all ownerships in the 33,422-acre cumulative effects analysis area, approximately 4,116 acres of potential wolverine habitat is present at elevations
greater than 7,200 feet, that are the most likely remote places persistent snow would exist in late spring. Approximately 80% of the 4,116 acres of potential wolverine denning habitat is
located >1 mile from the project area."

Even though it is true the acreage of potential denning
habitat within the project area is small, what we should not forget is that last sentence. Eighty per-cent of the wolverines denning habitat in the cumulative effect’s analysis area is greater than
one mile from the project area. If we understand anything about wolverines, we know that this species is very mobile and can travel great distances in short periods of time. One mile is no distance
at all for a wolverine. The same could be said of 5-10 miles. The fact that these species have potential habitat, denning habitat at that, near, extremely near and in the project area; this should be
reason enough to suspend or cancel this project. Even though the DEIS acknowledges the situation on the ground, once again it seems the DEIS seems to downplay the seriousness of the potential result,
another piece of habitat lost.

The same arguments could be made for other species
located in the project area, species which are listed under the Endangered Species Act. This is at the heart of the argument for establishing wildlife corridors and maintaining biodiversity. This
area is rich in wildlife. The area is rich in its biodiversity and has great significance to maintain a wildlife corridor. Should we put asunder what nature has communally brought
together?

The Project’s Wildlife
Legacy:

The DEIS has tried to lay claim to the Montana citizen
that this is a temporary project. Two to three years tops, and it is over and done, except for some continued mitigation and monitoring. And we can’t forget about the recreational aspect of this, as
new roads and openings into the forests will bring more people through the years. But we at GWA believe that the impact will be more long-lasting than this. Some of the excerpts from the DEIS even
admit to this fact. These statements found within the DEIS admit to the projects negative impact on the area’s wildlife legacy.

Page 133:

“During operations, most large carnivores and ungulates would likely be displaced to some degree for the duration of activities (approximately 2-3 years) due
to motorized disturbance and increased human activity in the area. Overall, timber harvesting associated with Alternative A would have a moderate adverse impact on species that prefer interior forest
conditions and well-connected mature forest cover.”

Page 130:

“Overall, timber harvesting associated with Alternative A would have a moderate adverse impact on species that prefer interior forest conditions and
well-connected mature forest cover.”

Page 156:

“Under Action Alternative A, total road amounts would increase from 4.3 miles to 9.6 miles in the project area, which could cause a proportional increase in
disturbance and displacement of wildlife that use the 2,725-acre project area.”

Page 156:

“Trees would be expected to regenerate over the next 2 to 4 decades in treated harvest units and they would begin to provide cover and greater security,
which would lessen disturbance and displacement impacts to wildlife associated with the created roads.”

And finally, the clincher statements which are found on
Page 157, under the heading Direct and Indirect Effects of Action Alternative A.

Statement 5 –“disturbance and displacement of wildlife
could be expected for several decades”

And at the bottom of that paragraph –“we anticipate
activities under Action Alternative A would result in a moderate to high level of displacement potential due the increase in new permanent, restricted roads and associated indirect increases in
recreational uses during all seasons.”

This will be the project’s legacy. We believe that
these affects will be long-lasting. And deep in the text of the DEIS, it states this as well. These proposed actions of Alternative A and B will be with us for decades. But we won’t feel the effects
of such action nearly as much as the wildlife.

In
Conclusion:

We began this discussion with the context this project
has a cost and has a benefit. We wanted to know what would be the value gained or lost to the community if this project were to move forward. But more specifically, we want to know what would be the
ecological harm, if any to our backyard. The DEIS seems to read that this project is a “cure all” for all of this forest’s ills. Not only would DNRC manage vegetative treatments in order to “restore
health” to DNRC forests, but they could harvest the timber on these lands in order to meet the demand placed upon them by an antiquated law. A law written to divert funds to a trust fund of the State
of Montana. “DNRC kills two birds with one stone” – pardon the pun. We disagree with this premise as written in the DEIS. There is a value to be had as the ecology exists right now. It is hard to
place a dollar amount on something that is priceless, but also on something that people take for granted. Right before our own eyes, we are sacrificing a greater value for one of minimal, temporary,
monetary gain. This is GWA’s position. When we look at the long-term damage to be done to the flora and fauna of our forest, who pays a price for that? It is the natural world itself. Who speaks for
them? The DEIS does not seem to place a value on these resources; it only sees the monetary resource from a timber harvest. There is so much more before our eyes; once again are we taking this
resource for granted?

The DEIS presented 4 alternatives. Alternative A and B
are nearly the same with Alternative B being a slightly less aggressive form of Alternative A. Comments made in this format are directed to both Alternatives. We do not support Alternatives A and B
in any way as they both are considered intrusive on the landscape causing long-term ecological damage to the local biome. The revenues gained from Alternative A and Alternative B were estimated to be
$189,600 and $130,478 respectively. GWA believes the ecological damage done by either alternative far outweighs the economic benefit. There is a “No Action” Alternative, one mandated by the
National Environmental Policy Act of 1969 (enacted Jan. 1, 1970). Although this alternative may seem acceptable to some, we’re afraid the choice of the No Action Alternative will not decide the
matter. What is to prevent this action from being proposed again. As long as there is a mandate in state law, we see very little to be gained from supporting this
alternative.

GWA prefers Alternative C, although even this choice
has a drawback. For a description of Alternative C, it is quoted here from page 16 from the DEIS.

“Under
Montana Code Annotated 77-5-208, the Department may accept applications for conservation licenses in lieu of timber sale. DNRC received an application for a conservation license in lieu of timber
sale in the fall of 2016. This license is a temporary deferral of timber harvest over a specified geographic area. During the MEPA process, the Department must set the term length of the license as
well as other provisions contained within it. Through this application process, conservation license applicants have reserved the right to bid against timber sale purchasers during the bidding phase
of this timber sale project. This action alternative will analyze for the issuance of a conservation license in lieu of a timber sale and the impacts associated with deferral of forest management for
a term of 10 years. The potential effects of this license would be similar to the No-Action Alternative and will be analyzed accordingly.”

Alternative C provides a conservation license in lieu
of a timber sale. Conservation license applicants can bid against the timber sale purchasers. That would provide funds for the school trust fund. This would be an acceptable and no-nonsense way to
achieve the goals desired yet protect our heritage from unwanted exploitation at the same time. Our fault with this alternative is the term of 10 years used for the purpose of deferral of forest
management. Why 10 years? Conservation is much more long term than 10 years. The actual length of the term can be debated at another time and we look forward to that debate. In the meantime, that
would mean our forest could breath for another day.

There is a phrase which has caught on in our society,
that being “It is time to search for our better angels.” We know the science is out there. We need to be judicious and recognize the science that has been manipulated by special interest groups to
support their ulterior motives from the science that serves and protects the planet. Our better angels will hopefully help us choose the science which makes us be the better stewards we are called to
be.

We want to thank DNRC for the opportunity to comment on
the Limestone West Timber Sale Draft Environmental Impact Statement. We hope DNRC will give serious consideration to our thoughts and thought process. We urge DNRC to look into these sources for
advice and consult.

Greater Yellowstone Winter Wildlife Working Group.October of 1999. Effects of Winter Recreation on Wildlife of the Greater Yellowstone Area: A Literature Review and Assessment.
http://www.snowmobileinfo.org/snowmobile-access-docs/Effects-of-Winter-Recreation-on-Mountain-Goats_1999.pdf